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QSIT Management Controls

QSIT Management Controls. QSIT Workshops. Management Controls. Importance Assessment Demonstration of Compliance. Quality System. Corrective & Preventive Actions. Design Controls. Production & Process Controls. Management. Equipment & Facility Controls. Material Controls.

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QSIT Management Controls

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  1. QSIT Management Controls QSIT Workshops

  2. Management Controls • Importance • Assessment • Demonstration of Compliance

  3. Quality System Corrective & Preventive Actions Design Controls Production & Process Controls Management Equipment & Facility Controls MaterialControls Records, Documents, & Change Controls

  4. Top Ten FDA 483 Items Records (20%) CAPA (50%) PAPC (30%) Non-QSIT Inspections

  5. Top Ten FDA 483 Items Records (10%) CAPA (30%) PAPC (20%) Mgmt (40%) QSIT Inspections

  6. QSIT Progression 1. Management Controls 2. Design Controls 3. Corrective and Preventive Actions 4. Production and Process Controls 5. Management Controls

  7. How Will Management be Inspected? • QSIT Guide • Purpose and Importance • Objectives • Flow chart • Narratives

  8. Assessment“Top Down” - Defined and Documented 1. Quality Policy Management Review Procedures Quality Audit Procedures Quality Plan QS Procedures and Instructions

  9. Assessment“Top Down” - Implemented 2. Quality Policy and Objectives 3. Organizational Structure 4. Management Representative 5. Management Reviews 6. Quality Audits

  10. Assessment“Top Down” (At Inspection Conclusion) 7. Quality System Established and Maintained

  11. QSIT Study Findings

  12. Terms and Definitions

  13. Management with Executive Responsibility - 820.3(n) • Those senior employees of a manufacturer who have the authority to establish or make changes to the manufacturer’s quality policy and quality system • Possess responsibility, authority and power

  14. Management Representative 820.20(b)(3) • Has established authority over and responsibility for: • Ensuring the quality system requirements are effectively established and maintained • Reporting on the performance of the quality system to management with executive responsibility to review

  15. Quality Policy - 820.3(u) • The overall intentions and direction of an organization with respect to quality • As established by management with executive responsibility

  16. Quality System - 820.3(v) • The organizational structure, responsibilities, procedures, processes, and resources for implementing quality management

  17. FDA’s Authority to Hold Management Responsible • FD&C Act - Section 704(a)(1) • 21 CFR 820.20 • Case Law - Dotterweich & Park • FDA will determine authority and responsibility to the highest level of the firm as well as the corporation or organization.

  18. Delegation by Management with Executive Responsibility • Establishment of quality objectives • Translation of objectives into methods and procedures • Implementation of quality system

  19. Responsibility of Highest Level of Management • Establish Quality Policy • Ensure that it is followed

  20. How to Demonstrate Compliance • Procedures ... • Verbal Communications • Written records and documents

  21. Establish [21CFR 820.3(k)] • Define • Document • Implement

  22. What FDA Evaluates • Duties • Responsibilities • Authorities

  23. Procedures … FDA Looks At • Quality Policy • Quality Plan • Management Review • Quality Audit • Quality System Procedures and Instructions

  24. Verbal Communications FDA “Looks At” • Management with Executive Responsibility • Commitment to quality • Dialogue during daily “wrap-ups” • Commitment to correction and prevention

  25. Verbal Communications FDA “Looks At” • Management Representative • Interviewed prior to review of each subsystem • Provide overview of each subsystem • Demonstrate knowledge and understanding of each subsystem • Dialogue during daily “wrap-ups”

  26. Verbal Communications FDA “Looks At” • Employees • Familiar with the Quality Policy • Other dialogue

  27. Written Records/ Documents FDA Looks At • Organizational Structure • Appointment of Management Representative

  28. Written Records/ Documents FDA Looks At • Documentation that audits were conducted as scheduled. • Documentation that management reviews were conducted as scheduled.

  29. FDA Access to Audit and Management Review Reports • FDA’s policy relative to the review of quality audit reports is stated in CPG 7151.02 (CPG Manual subchapter 130.300). • This policy restricts FDA access to a firm’s audit reports.more...

  30. FDA Access to Audit and Management Review Reports • Under the Quality System Regulation, this restriction extends to reviews of supplier audit reports and management reviews. more...

  31. FDA Access to Audit and Management Review Reports • However, the procedures that show conformance with 21 CFR 820.50, Purchasing Controls, and 21 CFR 820.20(3)(c), Management Reviews, and 21 CFR 820.22, Quality Audit, are subject to FDA inspection.

  32. FDA Access to Audit and Management Review Reports • FDA may look at those portions of these audit reports and reviews that contain corrective and preventive actions if these are the only places these action decisions are documented.

  33. How does Management Assure an Effective Quality System? CAPA Management Review Audits

  34. At the Conclusion of the Inspection ... “Evaluate whether management with executive responsibility ensures that an adequate and effective quality system has been established and maintained.”

  35. Exercise

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